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Kevin Dolan, Senior Vice President of Global Tax for Merrill Lynch & Co., Inc. delivers his expertise and guidance in chronicling the tax consequences of international M&A activity. The practical examples included with this treatise demonstrate opportunities and critical considerations necessary when undertaking an acquisition or divestiture of a business located in a foreign country.
As well as examining the many tax consequences and entanglements associated with the acquisition or divestment of a foreign business, U.S. Taxation of International Mergers, Acquisitions and Joint Ventures also explores the issues associated with debt financing; subsidiary holding companies, entity classification, property transfers, partnerships, legal procedures in foreign jurisdictions. Get authoritative coverage on topics such as:
¦ Opportunities and problems raised in creating joint ventures with U.S. and foreign participants, along with possible solutions
¦ The interface of the Internal Revenue Code and the tax laws of foreign jurisdictions
¦ Inconsistencies in the treatment of business entities among foreign jurisdictions
¦ Topics dealing with the formation of the venture, including outbound transfers to and from the partnership and outbound transfers of partnership interests |